"It is admitted and averred that the defendants have produced and continued to produce content for broadcast. The defendants do not broadcast the content directly to any satellite. The content produced by the defendants is streamed on the internet to companies who then uplink the content to the relevant satellite. Any broadcasts for which the defendants were responsible were authorised by the appropriate licences."
"The defendants aver that they stream content on the internet 'to companies who then uplink the content to the relevant satellite'. 1. Please identify the 'companies' referred to. 2. Please state the relationship (if any) of the defendants to these companies. 3. Please explain how the defendants stream content on the internet. 4. Is the 'content' sold to the 'companies', in which case please disclose the relevant contracts, or the 'content' made available for download on an internet site, in which case please identify the site and state whether the download is made available free of charge and what (if any) conditions are imposed on such downloads."
"Request 3 mischaracterises paragraph 6 of the defence. Paragraph 6 of the defence avers, amongst other things, that the 'content produced by the defendant is streamed on the internet to companies who uplink the content to the relevant satellite'. It does not aver that the defendants stream the content on the internet. The defendants do not stream the content of their programmes on the internet. The content contributed to by the defendants is streamed to STN by sponsors/supporters of the defendants. 1. The word 'companies' in paragraph 6 of the defence should properly be 'a company'. That 'company' is STN. 2. The claimant has not specified what it means by the words 'relationship' in question 2. The defendants do, however, confirm that they do not have any technical, commercial, legal or financial relationship with STN. 3. The defendants do not stream the content they produce on the internet. As set out above, the content contributed to by the defendants is streamed on the internet by sponsors/supporters of the defendants. 4. The defendants do not sell the content they contribute to. Content on the MIRA web site can be downloaded without charge. The web site address is www.islah.tv. No conditions are placed on such downloads."
"Our clients stream broadcasts on the internet to Satellite Telecommunications Network ('STN'). STN in turn uplink the broadcasts to various satellite service providers from time to time pursuant to legitimate contractual arrangements. Our clients do not procure the services of STN and the satellite service providers. These services are arranged and paid for by our clients' various sponsors."
"4. The defendants shall identify by letter to the claimant the name(s) address(es) and contact information (including without limitation email addresses and telephone numbers) of the 'sponsors' referred to in the defendants' solicitors' letter dated24 April 2008 ."
"If such individuals were to openly express their sympathy for MIRA they would be prone to harassment, arrest and even torture by many of the particularly harsh Middle Eastern Governments. What are regarded as acceptable levels and forms of freedoms in this country are not tolerated at all in many other countries. I am therefore unwilling to identify in any way these individuals." (3) As regards his broadcasting activities, it is the defendant's evidence that he himself produces programmes for publication on the internet. He does not protect them in any way and they are free to others to download and distribute as they wish. However, it has become more and more difficult for people in Saudi Arabia to access his web site and over the last six years his supporters have taken occasion, where possible, to broadcast his material on satellite television, using a number of satellites (not including the claimant's) which cover the Middle East: two in particular that are referred to in the evidence are the Hotbird satellite operated by Eutelsat, and Nilesat. These broadcasts were all made under ordinary commercial arrangements with the relevant companies and were entirely legitimate; but they had had only limited success owing to jamming by the Saudi government, and latterly the satellite companies in question had been increasingly unwilling to broadcast the defendant's material because, he says, of pressure from the Saudi government. He exhibits a letter from one such company, Hellassat, which appears to support that evidence. (4) The defendant says that although of course he welcomes these broadcasts of his material and he is plainly very fully informed about them, he does not himself make any of the arrangements. At paras.35 to 39 of the witness statement he says this: "35. MIRA receives help from its supporters in a variety of ways. In the context of this case, people undertake to fund the broadcast of content contributed to by me by engaging the services of a variety of satellite service providers which cover different regions around the world. 36. Such individuals or groups or organisations, whoever they may be, liaise with the distributor. Currently all of the broadcasts of the content contributed to me [I interpose to say that that is clearly a slip for 'by me'] are arranged by the distributor Satellite Telecommunications Network, STN. STN are based in Slovenia. 37. It is the funders' responsibility to organise renting or leasing space from a satellite company to broadcast from. We do not have a role in this process at all. However, we sometimes recommend satellite companies to a supporter who wishes to cover the cost for broadcasting. 38. All of the satellites that have broadcast our programmes from time to time have been funded by our supporters. We do not participate in arranging, funding or securing contracts for these services. 39. The contract or contracts with STN were entered into and funded by MIRA's supporters. MIRA's supporters also fund its operational costs." (5) Although the relevant passages of the witness statement refer frequently to "our supporters" or "
"3. By paragraph 4 of the draft order the claimant seeks an order that I identify the names, addresses and contact information of the 'sponsors' referred to in my solicitor's letter of24 April 2008 . I confirm that I do not have any knowledge of the identities of, or any information about, any person or persons involved, either directly or indirectly in or responsible for the broadcasts complained of in these proceedings (which are particularised in paragraphs 12 and 13 of the Amended Particulars of Claim). 4. As to the individuals who are not (as far as I am aware) responsible for the broadcasts complained of by the Claimant and who are referred to as my 'sponsors' (in the Claimant's application) and also referred to in paragraph 1.2 of Quist's letter dated24th April 2008 , I confirm that I have only some limited information about some of my sponsors. I am not, however, in a position to reveal such information as, I believe, the consequence of doing so would result in a real risk to the safety of those concerned. In any event, those 'sponsors' about whom I have some limited information were not, as far as I am aware, involved either directly or indirectly in or responsible for the broadcasts complained of."
"The claimant has three main objectives in requesting disclosure of the identities of the sponsors: (1) To prevent any further interference with and unauthorised broadcasts from the claimant's satellites. It is to be hoped that the sponsors would agree to be bound not to cause such interference or to make such unauthorised broadcasts without the need for contested legal proceedings. (2) To determine whether legal proceedings should be issued against the proceedings and, if so, in what forum, as well as to consider whether any action should be taken against any customers who have sub-leased space to the sponsors. (3) To issue legal proceedings against the sponsors."
"The Defendants do by no later than 4.00 p.m. on11th July 2008 disclose to the Claimant by way of a letter to the Claimant's solicitors (or in such other manner as the parties may in writing agree) the identity of any person who was or may have been involved in any way in arrangements for the broadcasting of the Defendants' material via the Claimant's satellites insofar as the identity of any such person is known to the Defendants."